Cathriona O'Neil ISO 11607 1&2 Compliance Requirements
Cathriona O'Neil ISO 11607 1&2 Compliance Requirements
Cathriona O'Neil ISO 11607 1&2 Compliance Requirements
Compliance Requirements
Cathriona O’Neill
I.S. EN 11607 Introduction
ISO 11607 is the principal guidance document.
Why?
• To satisfy the relevant Essential Requirements of the European Directives
• To obtain CE Mark.
• FDA Recognised Consensus Standard, used for premarket review
submissions.
Sterile Barrier System (SBS): The minimum packaging that prevents ingress of
microorganisms and allows aseptic presentation of the product at the point of use.
Preformed Sterile Barrier System: Sterile barrier system that is supplied partially
assembled for filling and final closure or sealing e.g. pouches, bags, rigid trays with
die-cut lids and open reusable containers.
Packaging System: The combination of the sterile barrier system and the protective
packaging.
The combination of the medical device and the packaging system should perform
efficiently, safely and adequately in the end-user’s hands.
It takes into consideration the vast array of potential materials, packaging system
designs and sterilisation methods. Specifies the requirements and test methods
until the point of use.
Microbial Barrier
• Air permeance determined by porosity testing. Demonstration of Impermeability
satisfies the microbial barrier requirement.
• Reusable containers & tamper-evident seals.
Design and Development process must be recorded, verified and approved prior to
release of the product.
The development and validation of the packaging processes are crucial to ensure
that sterile barrier system integrity is maintained until opened by the users.
TEST METHODS:
• Validated and Suitability documented.
• Acceptance Criteria established.
• Repeatability, Reproducibility and Sensitivity to be determined.
Validation of existing products may rely on data from previous IQ and OQ.
When similar systems are validated, a rationale for establishing similarities and
identifying the worst case configuration shall be documented.
Process Development or Process Design while not formally part of the process
validation, should be considered an integral part of forming and sealing. This will
identify and evaluate critical parameters, operating ranges, settings and tolerances.
Establishes upper and lower processing limits and expected normal operating
conditions.
• Process limits should be sufficiently removed from failure or marginal
conditions.
• Potential failure modes and action levels having the greatest impact on the
process should be identified and addressed via FMEA or Cause and Effect
Analysis.
• Essential process parameters such as temp, pressure, dwell time to be
evaluated and selected that produce product in control and in specification.
Installation Qualification – IQ
Operational Qualification – OQ
Performance Qualification – PQ
Documented procedures for assembly and labelling, including contents, inserts, inner
wrapping and absorbent materials, that is based on the validated process assures
sterility from a defined sterilisation process.
The documentation shall summarise and reference all protocols, results and state
conclusions regarding status of the process.
Procedures shall be established to ensure that the packaging process is under control
and within the established parameters during routine operation.
Processes shall be revalidated if changes which compromise the original validation and
affect sterility, safety or efficacy.
Changes that could affect the status of a validated process:
• Changes to the equipment, new equipment installed.
• Changes to the product.
• Raw material changes that impact process parameters.
• The packaging process.
• Transfer of process / equipment to another facility / location.
• Sterilisation-process changes.
• Negative trends in quality or process control indicators.
If the situation does not require that all aspects need to be repeated, the revalidation
should reflect this.
Thank You!